MEMORANDUM OPINION
WELLS, Judge:
Respondent determined that petitioner was not entitled to equitable relief pursuant to section 6015(f) for petitioner's 1994, 1995, 1996, 1997, 1998, and 1999 tax years.1 The issue to be decided is whether respondent's denial of petitioner's request for equitable relief pursuant to section 6015(f) was an abuse of discretion.
The parties have submitted the instant case fully stipulated...
Let's get started

Welcome to the leading source of independent legal reporting
Sign on now to see your case.
Or view more than 10 million decisions and orders.
- Updated daily.
- Uncompromising quality.
- Complete, Accurate, Current.